. . . "activity in the energy, shipping, or shipbuilding sectors of Iran for which sanctions under the IFCPA have been imposed; (b) for the sale, supply, or transfer to or from Iran of certain materials (i.e., graphite, raw or semi-finished metals such as aluminum and steel, coal, or software for integrating industrial processes) for which sanctions are imposed under the IFCPA; or (c) that has been desig" . .